Acceptable Use Policy.
1. Purpose
This Acceptable Use Policy ("AUP") describes the categories of content, customers, and conduct that are permitted, restricted, or prohibited on services provided by Admind, Inc. ("Admind," "we," "us"). It applies to all users of our Services, including customers of our advertising-compliance practice and our grants & incentives practice. The AUP is incorporated into our Terms of Service.
We maintain this policy because compliance is a foundational discipline of how Admind operates. Both of our practices are designed around the principle that legitimate businesses deserve a clear, documented standard of what we will and will not work on.
2. Prohibited categories and conduct
You may not use the Services in connection with any of the following:
- Illegal goods or services. Any product, service, or transaction that is unlawful under U.S. federal law or under the laws of any jurisdiction in which the customer or end audience is located, including but not limited to controlled substances outside lawful channels, weapons trafficking, and human trafficking;
- Sanctioned parties and jurisdictions. Customers, beneficial owners, or end markets that are subject to U.S. economic sanctions administered by the Office of Foreign Assets Control (OFAC) or that appear on applicable denied-party lists;
- Child sexual abuse material (CSAM) or content sexualizing minors in any form. Any apparent CSAM is reported to the National Center for Missing & Exploited Children (NCMEC) and to law enforcement;
- Non-consensual intimate imagery or content created or distributed without the consent of identifiable individuals;
- Fraud and deception. Schemes designed to deceive consumers or platforms, including pyramid or Ponzi schemes, fake consumer reviews, or material misrepresentation of identity, sponsorship, or endorsement;
- Fraudulent or misleading government filings. Submission of false, inflated, or misleading information in connection with any grant, subsidy, tax-credit, or tax-refund application;
- Threats, harassment, and incitement of violence. Content that promotes, glorifies, or incites violence against individuals or groups;
- Election interference. Content designed to suppress voting or to deceive voters about the time, place, or manner of an election;
- Malware and unauthorized access. Distribution of malicious code; attempts to gain unauthorized access to systems or data;
- Intellectual property infringement. Material that infringes copyright, trademark, or other rights, including counterfeit goods;
- Categories prohibited by U.S. federal law that are not addressed elsewhere in this AUP.
3. Restricted categories
Our advertising-compliance practice operates in segments that mainstream advertising platforms decline even though they are lawful. Where U.S. federal law and applicable state law permit a category, but the category is heightened-risk, we apply additional review, documentation, and routing requirements before accepting work. These categories include, without limitation: dietary supplements and functional foods; weight-management products; sexual-wellness products; lawful CBD and hemp-derived products; nicotine and vapor hardware; online gaming and lawful sweepstakes; crypto and digital assets; privacy software and VPNs; telehealth and pharmacy; financial, credit, and debt-relief services; alcohol and spirits; firearms accessories; astrology and esoteric services; dating and companionship; subscription and trial offers; real estate and timeshare; political and advocacy messaging; and pharmaceutical and OTC products making health claims.
Acceptance into a restricted category requires customer-level due diligence, including identity, beneficial-ownership, and where applicable licensing or registration verification. A category is eligible only where it is lawful under U.S. federal and applicable state law; we decline anything unlawful. We may decline any customer or campaign at our sole discretion, with or without explanation, where doing so is consistent with our compliance posture.
4. Advertising-specific standards
For our advertising-compliance practice:
- All creative is reviewed against per-channel policy before submission;
- Health-related claims must be substantiated and must not state or imply that a product diagnoses, treats, cures, or prevents disease, except where lawful and substantiated;
- Disclosures, disclaimers, and "results not typical" language are added where required by the applicable channel or by U.S. consumer-protection law;
- Targeting must comply with applicable laws on protected classes and sensitive categories;
- Customer must hold all necessary rights in submitted creative and underlying assets.
5. Grants & incentives standards
For our grants & incentives practice, which helps U.S. businesses identify and apply for lawful grants, subsidies, tax credits, and tax refunds:
- All information submitted to a government agency or program must be true, accurate, complete, and not misleading;
- Customers are responsible for the underlying facts of their eligibility; we help prepare and route filings but do not fabricate, inflate, or embellish eligibility;
- We do not provide legal, tax, or accounting advice, and our work does not replace your own qualified advisors;
- Eligibility determinations, awards, and refunds rest solely with the relevant agency; we do not guarantee any outcome or amount;
- We decline any engagement that would require a false statement to a government body or that seeks funds the customer is not lawfully entitled to receive.
6. Enforcement
We may, at our sole discretion and without prior notice, suspend or terminate access to the Services, remove content, decline a campaign or filing, refund or withhold fees, or take other appropriate action, in response to actual or suspected violations of this AUP, our Terms of Service, or applicable law. Where required by law or by the operative agreement, we will cooperate with regulators, channels, agencies, and law-enforcement authorities.
7. Reporting violations
If you believe a customer or piece of content on the Services violates this AUP, applicable law, or your rights, please contact contact@admind-ai.com with the subject line "AUP Report" and include the relevant details. Reports of suspected child sexual abuse material are reported to NCMEC and law enforcement.